Aug. 30, 2023
Hello, I cannot and do not support this proposal. Each item change should be a separate proposal to allow all market participants the resources necessary to interpret each proposed rule change, and how each proposal will impact the market in which they participate. The commission's attempt to title this rule proposal as a Safeguarding rule is extremely misleading as well as concerning. The costs of surprise examinations are necessary for investor’s protections when unreasonable advisors are only willing to give their reasonable determinations as investor safeguards. Transparency and accountability will lead to fewer economic recessions. Thank you